Senin, 06 Januari 2020

Scott Pilgrim vs The World Full Online Movie Review

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Scott Pilgrim vs The World is the most original, stunningand unexpected movie release of 2010. You will either love or hate this movie,there is no middle ground. Watch Scott Pilgrim vs The World for free online andsee what everybody is talking about.

Trying to classify this movie is almost impossible as itborrows heavily from action films, romances, kung fu, videogames, and others.The visuals and music components are fantastic, and both are vital to the film.But its how director Edgar Wright (Shaun of the Dead) melds them all togetherthat really counts.

Scott Pilgrim (Michael Cera) is a young, 20-somethingrocker, slacker and all around dork who falls in love one day when he sees thegirl of his dreams .. Beautiful Amazon.com delivery girl Ramona Flowers (playedby the beautiful Mary Elizabeth Winstead).Pilgrim stumbles badly during his first attempt to impress her, lookingmore like a dork than ever before. But when he gets his second chance hesucceeds in winning her over.

Just as things look like happily ever after, Ramonadiscloses to him that she comes with some baggage in the form of 7 angry ex-boyfriends. Before they can betogether Pilgrim must fight each of the evil-exes one-by-one. Oh yeah, andeach fight is to the death.

The rest of the movie deals with Pilgrim fighting each ofthe 7 evil exes to hold on to his one true love Ramona. But these fights arelike nothing the audience has seen before. The director has patterned themafter classic video games. Included are punches, reversals, hit combinations,guitar wars, swords whips and more. When contact is made, say a punch to thehead, we see the actual words such as baam or slap appear at the point ofimpact. Then as the fighting continues these word bubbles fall to the floor andshatter. Simply amazing.

Each of the evil exes bring their own special skill set tothe fight, and that helps in preventing the fights from becoming too similar as Pilgrim must findunique ways to defeat each foe. Also, like a video game each evil ex (ie;level) is tougher than the previous one. When an evil ex is defeated theyimmediately collapse into a pile of game tokens, which Pilgrim must collect anduse in the next round.

Michael Cera is perfect as the slacker who will do anythingto hold onto the girl he loves. Kieran Culkin practically steals the movie as WallaceWells, Scotts gay roommate. Wells has many of the movies bet one-liners, andthese are sure to be quoted over and over in the coming months. All of the 7 Evil-Exsare very good, with Satya Bhabha (ex #1) and Mae Whiteman (ex #4) outstanding

With everything going on in this movie it is easy to loosesight of the real message, that every relationship comes with some baggage.Unlike other movies where the relationship participants rarely have much of apast, Pilgrim and Flowers both do. Its how they deal with them that determinesif they remain a couple.

Scott Pilgrim vs The World probably wont win any awards,but it is sure to be one of the most talked about pictures of 2010.


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For further reviews, cast information, trailers and more for this movie visit Scott Pilgrim vs The World Full Online Movie Links

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Minggu, 05 Januari 2020

Sony KDL46NX810 Specifications

The KDL46NX810 even makes it entirely possible to see a dimly lit screen and at the same time see bright imagery, thus giving a superior viewing experience. This is made possible via the local dimming function. And this also creates that 3D like feel, that virtually have the images pop out of your screen just like a 3-d movie in the cinemas. Also switching the lights out gives that theatre-like feel.

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This Sony Bravia LCD HDTV provides the smart Bravia Engine 3 - the heart of this NX line of LCD Hd tv. The Bravia Engine is the video processor chip with which you can view life-like pictures through never-before-seen colors. Additionally, it provides you with a blur-free vision using a full Hd 1080p standard resolution.

This Sony Bravia KDL46NX810 Tv has the Dynamic Edge LED backlighting technology for seamless visuals, and also Motionflow PRO 240Hz technology in order to glimpse every last frame of fast-action scenes. The Dynamic Edge LED equally makes for wonderful contrast levels giving you crystal-clear details together with strong blacks and also extraordinary whites ensuring a overall performance second to none.

Apart from these regular features, the Sony Bravia KDL46NX810 46-inch LCD Hdtv gives you speedy connection to the internet by means of the convenience of your own chair! Now you can lookup your choice of internet website content on your Television set together with the unique Sony Bravia Internet based Video. This feature lets you to indulge in the online world using its wide sources like Video on Demand by Amazon, Pandora, Netflix, and Crackle Internet Radio. These companies let a person to browse through and watch hit movies, new Television shows, wonderful music, plus much more.

On-line entertainment on ones own Tv is all very good, however, if you want a cinematic encounter while viewing films on your Television, then the KDL46NX810 is made for you.

The KDL46NX810 even renders it entirely possible to look at a dimly lit screen and at the same time see bright imagery, this offers a superior viewing experience. This is made possible via the local dimming feature. And this also creates that 3D like feel, that basically have the images stand out from the screen much like a 3-d movie in the cinemas. Additionally turning the lights out will give that theatre-like feel.

Staying on the subject of the 3d viewing experience, What ever your choice of entertainment, sporting activity, horror, or perhaps video games; take advantage of experiencing them all in 3-d with full Hi-def 1080p image resolution. Integrate the Sony synchronization transmitter, then put on the active eyeglasses and finally you will be equipped for a 3-d show right within the confines of your home! The Sony Bravia 1080p 240 Hz LCD HDTV delivers anyone a fantastic 3D-viewing adventure that includes precisely the precise amount of image clarity.

Take home the Sony Bravia KDL46NX810 tv set, and sit down to some great viewing! It's a wonderful choice regarding improving the Tv screening experience of people at your house as well as yourself. The future of tvs is right here, you have to see it to believe it!










Office Space Movie Quotes

... ... You see Bob, it's not that I'm lazy it's that I just don't care. ... ... Well, I ... come in at least fifteen minutes late. I use the side door that wa

Straight-Shooter Award
Peter: You see Bob, it's not that I'm lazy it's that I just don't care.

Honesty Award
Peter: Well, I generally come in at least fifteen minutes late. I use the side door that way Lumbergh can't see me. After that I sorta space out for an hour.

Peter: Good luck with your layoffs all right? I hope your firings go really, really well.

Peter: Lumbergh's gonna have me work on Saturday. I can tell already. I'm gonna end up doing it because I'm a big pussy.

Joanna: How dare you judge me? Look at you. You're just some penny-stealing, criminal man!

Lawrence: Hey Peter man, check out channel 9, it's the breast exams.

Brian: Sounds like a case of the Mondays.

http://www.themoviequotesite.com/office-space-movie-quote.html

Sabtu, 04 Januari 2020

free Help 2010 mp3 songs

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Richlin v. MGM: Coauthor of Movie Treatment Does Not Automatically Own Movie Copyright

In Richlin v. Metro-Goldwyn-Mayer Pictures, 531 F.3d 962 (9th Cir. 2008), the heirs of one coauthor of the treatment that served as the basis of The Pink Panther series of movies asserted an interest in the motion picture copyright. The Ninth Circuit affirmed a district courts grant of summary judgment and agreed with the district court that the coauthor of a story treatment is not necessarily the coauthor of a subsequent movie based on that treatment, and therefore cannot necessarily claim a copyright interest in the movie. Accordingly, renewal of the copyright in the motion picture had no impact on the treatment coauthors interest.

Background

In April 1962, Maurice Richlin and Blake Edwards wrote a 14-page treatment for a movie then entitled The Pink Rajah later renamed The Pink Panther. In May 1962, Richlin and Edwards entered into an employment agreement with the Mirisch Corporation to write the screenplay for the movie as a work made for hire. 531 F.3d at 965. Later that same month, Richlin and Edwards executed a literary assignment agreement, transferring and assigning all of their rights in the Pink Panther story to Mirisch, including the right to copyright the treatment, renew the copyright, and retain all benefits therefrom. Id.

The first Pink Panther movie was released in 1963, followed by nine sequels, many of which credited Richlin and Edwards with creation of the characters. The first such movie indicates a copyright notice of 1963 in the name of Mirisch and G&E Productions. The U.S. Copyright Office issued a certification of registration for the motion picture entitled The Pink Panther in 1964. Id. The treatment itself was never registered or separately published.

Richlin died in 1990. The 1963 copyright on the movie was set to expire in 1991, but it was renewed that year by Mirischs successors-in-interest, MGM-Pathe Communications Co./ Geoffrey Productions Inc. (collectively MGM). No one attempted to renew any copyright on the treatment or the screenplay. Id. at 966.

In November 1992, MGM sent Richlins widow a check for payment in full for any rights used in or relating to [Son of Pink Panther] that are owned or controlled by Maurice Richlin or by you pursuant to the Writers Guild of America agreement or otherwise. Id. at n.6. Though the check was paid pursuant to a 1965 settlement agreement between Richlin, Edwards and Mirisch, the money and the letter alerted Richlins heirs to the possibility that they might own rights to the Pink Panther series.

Richlins heirs filed suit in federal court in the Central District of California seeking declaratory relief and an accounting. They asserted a 50% renewal interest in the treatment and all derivative works, including all of the Pink Panther movies. The district court found that the plaintiffs had no such rights and granted summary judgment in favor of MGM. On appeal, the ninth circuit agreed. Richlin v. Metro-Goldwyn-Mayer Pictures, 531 F.3d 962 (9th Cir. 2008).


Richlin did not coauthor the movie and thus has no copyright interests in the movie

The Richlin heirs asserted two legal theories in support of their claim, both of which were rejected by the courts. First, the plaintiffs claimed that because Richlin coauthored the treatment, which was a substantial component of the movie, he is also by definition a coauthor of the movie. 531 F.3d at 967.

As coauthor of the movie, Richlin would have an interest in the movies copyright. Although Richlin assigned all copyright renewal rights, he died prior to the renewal date. An assignment of renewal rights is only effective if the author/assignor is alive at the time of the renewal term, because only then does the renewal interest actually vest in the author. Stewart v. Abend, 495 U.S. 207, 220 (1990). The Richlin heirs claimed that because Richlin died before the renewal term, the pre-vesting assignment was ineffective and the copyright interest reverted to them. 531 F.3d 962, n.5.

In determining whether Richlin coauthored the movie, the courts turned to Aalmuhammed v. Lee, 202 F.3d 1227, 1234 (9th Cir. 2000). Aalmuhammed sets forth three criteria to determine whether a work is jointly authored as defined under section 101 of the 1976 Copyright Act: (1)

1) Whether the putative authors ma[de] objective manifestations of a shared intent to be coauthors; a contract evidencing that intent is dispositive;
2) Whether the author superintended the work by exercising control -- often the most important factor; and
3) Whether the audience appeal of the work can be attributed to both authors and whether the share of each in its success cannot be appraised. Id.

The courts agreed that Richlin undoubtedly coauthored the treatment. However, the treatment is not the appropriate reference point. 531 F.3d at 968. The lawsuit was premised on the claim that Richlins coauthorship of the treatment automatically made him coauthor of the copyrighted motion picture. Therefore, the court had to apply the Aalmuhammed factors to determine whether Richlin was coauthor of the movie, not the treatment. Id.

The first Aalmuhammed factor went against the plaintiffs, as Richlin executed an Assignment dispositively indicating that Richlin did not intend to be a coauthor by virtue of his manifested intent to convey away all present and future interests in the treatment and its derivative works. Id. at 969-970. Richlin also executed an employment agreement indicating that the script was a work for hire, another contractual provision inconsistent with an intent to establish coauthorship. Id.

The second Aalmuhammed factor easily lay in MGMs favor, as Richlin never exercised any supervisory powers or control over the movie. Id. at 970. Though Richlin co-wrote the screenplay as a work for hire, that does not equate to control over the creation of the movie. Id.

Though the third Aalmuhammed factor arguably favored the plaintiffs, the court stated: Given that the two primary Aalmuhammed factors weigh most heavily in favor of Appellees, we hold that Richlin was not a coauthor of the Motion Picture. Therefore, there is no renewal interest in the Motion Picture that might conceivably have vested in the Richlin heirs under a theory of coauthorship. Id.

The treatment was not copyrighted by virtue of publication of the movie

The plaintiffs second argument theorized that although the treatment itself was never published or the subject of federal statutory copyright, it obtained statutory copyright protection by virtue of publication of the movie, which incorporated portions of the treatment. The Richlin heirs claimed that because Richlin died before the renewal rights in the treatment vested, those rights reverted to them. Id. at 971. They further asserted that MGMs renewal of the movie copyright renewed their statutory copyright in the treatment, and because the movie incorporates the treatment, they co-own the movies copyright. Id.

Under the 1909 Copyright Act, which governed the treatment, unpublished works were protected by state law while published works received federal copyright protection. Id. Accordingly, when Richlin and Edwards assigned the treatment to Mirisch, California common law copyright protections applied that law held that an authors transfer of rights in a work prior to first publication completely and forever divested the author of his copyright interest, making the transferee the copyright holder. Id. at 972. Mirischs subsequent publication of movie containing copyrightable elements of the treatment secured federal statutory protection for the movie and protected the screenplays and treatments incorporated in the movie. Id. at 973 and 975-976.

However, the court noted that although the movies federal copyright protection did extend to those copyrightable elements of the treatment that were components of the movie, this did not constitute publication of the Treatment as such i.e., as a work standing alone. Id. at 973. The court deferred to the Register of Copyrights interpretation of the copyright statutes as holding that publication of a portion of a work does not necessarily constitute publication of the work as a whole. Id. Therefore, the movies publication that incorporated parts of the treatment did not invest the treatment with separate statutory protection. Id. at 973 and 975-976. (2)

Richlin and Edwards would have had to separately and independently publish the treatment in order to secure copyright protection for it under the 1909 Act they failed to do so. Id. at n.14. Because the treatment never received independent federal copyright protection, there was no right to renew anything, and nothing reverted to the Richlin heirs. Id. at 974 and 976-977.

Conclusion

The lesson from Richlin is clear in order for an author to claim copyright protection for a treatment, screenplay, or any other components of a motion picture, he or she must secure federal copyright protection by separate and independent publication and/or registration of the treatment or screenplay.

The Richlin case may have had more to do with the plaintiffs unsubstantiated greed than with resolving challenging issues of law. The contracts Richlin executed with Mirisch were clear and conclusive; the check Richlins widow received related to a settlement agreement, not questionable current copyright interests. The court did not have to forge new legal ground in deciding this case it merely showed the plaintiffs why their arguments failed under existing precedent. The plaintiffs likely spent a lot of money on legal fees to fight this losing battle.

The levity in the courts opinion reflects the lack of challenge it faced with this case. The opinion begins with: Inspector Jacques Clouseau, famously unable to crack the simplest of murder cases, would most certainly be confounded by the case we face. While Inspector Clouseau searched for the answer to the question, Who did it? we must search for the answer to the question, Who owns it? Although the Richlin heirs have developed several theories that could supply the answer to the question, Who owns it?, unlike Inspector Clouseau, they have not quite stumbled upon a theory that favors them. CITE


(1) Section 101 of the 1976 Copyright Act defines joint work as a work prepared by two or more authors with the intention that their contributions be merged into inseparable or interdependent parts of a unitary whole. 17 U.S.C. section 101 (1976). The copyright claims at issue are governed by the 1909 Copyright Act, not the 1976 Act, and the 1909 Act does not expressly address joint authorship. However, courts regularly applied the common law definition of join authorship to the 1909 Act. Section 101 of the 1976 Act incorporated the same definition that had been in use in the courts. Therefore, the Richlin courts determined that it was appropriate to reference interpretations of the 1976 Act language to the Richlin case, even though the 1976 Act did not, in general, apply to the underlying claims.
(2) The court referenced a decision by the Copyright Office Board of Appeals that an unpublished underlying work that is incorporated into a statutorily copyrighted motion picture does not receive a statutorily copyright independent of the motion pictures copyright. CITE, citing Husbands, Copyright Office Board of Appeals Letter, Control No. 10-600-754-2(C), at 6 (May 14, 2002).

Jumat, 03 Januari 2020

Top 5 Reasons Behind Salman Khan's Tubelight's Flop

Salman Khan Movies, Salman Khan Films, Salman Khan Tubelight Records, Bollywood Movies, Top Indian Movies, Latest Bollywood Movies, Top Indian Movie, Latest Bollywood Movies, Bollywood Trailers, Bollywood Reviews,Bollywood Scandals

Salman Khan's Tubelight has sunk at the box office and the Hindi film industry has suffered a setback. The distributor and the cinema owner were expecting a lot of earning, but this did not happen. Salman who come up with superhit movies on Eid can not do anything special on this Eid. Actually, the film was not good, so the film was sure to be a flop.Presenting 5 Reasons Behind Tubelight's Failure -Again Same StoryIt seems that director Kabir Khan was in hurry for the next film after Bajrangi Bhaijaan. They did not want to leave the advantage of Eid and Salman. He chose the story which was based on 'Little Boy'. He rolled 50+ years old Salman for the role of the little boy. This changed the emotions of the story itself. The Tubelight film looks like Bajrangi Bhaijaan. In that film (Bajrangi Bhaijaan) there was a little girl and in this film, a little boy. In that film there was Pakistan and in this film, China. It has been tried to make the people fool.Crying SalmanCommercial film lovers do not like to see their hero crying. That too without any reason. Salman has been shown to be very naive in the film. But in the movie, he roams with cry face, which seems very strange. His character was not written properly. His character seems to be fake. This does not suit the image of Salman. Mohammed Zeeshan slaps him in the film. How, his fans like this thing. Salman does not seem to be a hero in the film from anywhere. Everything in Climax itself is done automatically. After watching the whole movie it seems that Hero did nothing. Just made hope and miracles happened. Salman seems to be the misfit in this character. There was a need for a young hero for this character.No Heroine & No RomanceAlthough the role of heroine in the movie is insignificant, but her presence is necessary for the big and commercial film. Before releasing 'Tubelight', no one knew that who else is in the film besides Salman. Very few people know Chinese actress Zhu Zhu. Salman and his romance are not even in the film.Increased Ticket RateIn order to break the record of Baahubali, they raised the ticket price. Many theaters have increased the rate of fifty percent. Instead of watching the movie on the first day, people awaited the report of the movie. As soon as the movie reviewers and negative audience's negative reports came, the audience abandoned the intention of watching the film. This is the reason that the film was neither able to take a heavy opening, nor did the crowd gathered on Eid. If the ticket rate was low then the film's business was likely to be more.Music, Set, Acting All was AverageNot even a single song hit before the film's release. I do not remember any song after watching the movie. All the songs were mediocre. The film set was very fake. Salman and Sohail Khan were weak in acting.Read & Watch More:Latest Bollywood Movies, Bollywood Trailers, Bollywood Reviews,Bollywood Scandals

How to Choose the Best TV

A shopper who is looking for updating their electronic gadgets with the latest technology in the market needs tohave a look at his old TV at first. If you are a sports fan who loves watching matches on television within the comforts of your home or a movie buff who prefers watching movies on a big screen but wants to avoid the crowded multiplexes, shopping for a new television would definitely be a good idea.

A shopper who islooking for updating their electronic gadgets with the latest technology in themarket needs to have a look at his oldTV at first. If you are a sports fan who loves watching matches on television withinthe comforts of your home or a movie buff who prefers watching movies on a bigscreen but wants to avoid the crowded multiplexes, shopping for a newtelevision would definitely be a good idea.

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With all these uniqueand advanced features Panasonic tv hasmade its mark in the world of electronic gadgets and proved to be the leader inthe latest technology. It has defined a new genre altogether and people preferwatching movies on this 3 dimension set rather than watching them in 3dimensional theatres. If you are looking for some high end options in your newTV the answer is right in front of you Panasonic !